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On behalf of the Structured Finance Industry Group, Richard Johns, Executive Director, hereby submits the attached comment letter relating to the proposed rule, "Margin and Capital Requirements for Covered Swap Entities.” Should you have any questions relating to the attached comment letter, please contact Richard Johns, Executive Director of the Structured Finance Industry Group at (202) 524-6301 or via e-mail at richard.johns@sfindustry.org, or Sairah Burki at (202) 524-6302 or sairah.burki@sfindustry.org.
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